Document 3QRj532D7gXLNKz2wxaVVydED

Subject to and without waiving these objections, see Answer to Interrogatory No. 7. INTERROGATORY NO. 2Q; Has Defendant or any of its subsidiary or predecessor companies at any time been a member of any trade organization or association that published or disseminated any documents or information relating to the hazards of asbestos comprised of other manufacturers, miners, marketers, and/or sellers of asbestos products? If so, state: A. The name and address of each such association or organization. B. The dates during which Defendant or any of its subsidiaries or predecessors were members. C. The names and dates of any publications, minutes, or reports published, written, or disseminated by any of the named associations or organizations.. "v:VV D. Whether any of those publications are still in your possession, and if so: 1. A description of the publications, including the date. i'l 2. The current location of such publications. V 3. The custodian of _such...publications . -`i; 4. The method or manner in-which such publications are maintained. ANSWER: .Abex objects to this interrogatory on the grounds that it is burdensome and overly broad as to time and scope. Subject to and without waiving these objections, Abex was a member of the following trade associations: Asbestos Information Association of North America (1975 to NY1-86445. 03/31/95 2:34pm -24-